IR 05000440/2011011: Difference between revisions

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=Text=
=Text=
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION
{{#Wiki_filter:May 13, 2011


==REGION III==
==SUBJECT:==
2443 WARRENVILLE ROAD, SUITE 210 LISLE, IL 60532-4352 May 13, 2011 Mr. Mark Bezilla Site Vice President FirstEnergy Nuclear Operating Company Perry Nuclear Power Plant P. O. Box 97, 10 Center Road, A-PY-A290 Perry, OH 44081-0097 SUBJECT: PERRY NUCLEAR POWER PLANT  
PERRY NUCLEAR POWER PLANT - NRC TEMPORARY INSTRUCTION 2515/183 INSPECTION REPORT 050000440/2011011
- NRC TEMPORARY INSTRUCTION 2515/183 INSPECTION REPORT 050000440/2011011 Dear Mr. Bezilla
: On April 29, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Perry Nuclear Power Plant, using Temporary Instruction 2515/183, "Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event."


The enclosed inspection report documents the inspection results which were discussed on May 6, 2011, with you and other members of your staf The objective of this inspection was to promptly assess the capabilities of Perry Nuclear Power Plant to respond to extraordinary consequences similar to those that have recently occurred at the Japanese Fukushima Da iichi Nuclear Statio The results from this inspection, along with the results from this inspection performed at other operating commercial nuclear plants in the United States
==Dear Mr. Bezilla:==
, will be used to evaluate the U.S. nuclear industry's readiness to safely respond to similar event These results will also help the NRC to determine if additional regulatory actions are warrante All of the potential issues and observations identified by this inspection are contained in this repor The NRC's Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violation Any resulting findings or violations will be documented by the NRC in a separate repor You are not required to respond to this lette M. Bezilla-2- In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRC's document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
On April 29, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Perry Nuclear Power Plant, using Temporary Instruction 2515/183, Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event. The enclosed inspection report documents the inspection results which were discussed on May 6, 2011, with you and other members of your staff.
 
The objective of this inspection was to promptly assess the capabilities of Perry Nuclear Power Plant to respond to extraordinary consequences similar to those that have recently occurred at the Japanese Fukushima Daiichi Nuclear Station. The results from this inspection, along with the results from this inspection performed at other operating commercial nuclear plants in the United States, will be used to evaluate the U.S. nuclear industrys readiness to safely respond to similar events. These results will also help the NRC to determine if additional regulatory actions are warranted.
 
All of the potential issues and observations identified by this inspection are contained in this report. The NRCs Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report. You are not required to respond to this letter. In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).


Sincerely,
Sincerely,
/RA/ Jamnes L. Cameron, Chief Branch 6 Division of Reactor Projects Docket No. 50-440 License No. NPF-58  
/RA/
Jamnes L. Cameron, Chief Branch 6 Division of Reactor Projects Docket No. 50-440 License No. NPF-58


===Enclosure:===
===Enclosure:===
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REGION III==
REGION III==
Docket No:
Docket No: 50-440 License No: NPF-58 Report No: 050000440/2011011 Licensee: FirstEnergy Nuclear Operating Company (FENOC)
50-440 License No:
Facility: Perry Nuclear Power Plant, Unit 1 Location: Perry, Ohio Dates: March 23, 2011, through April 29, 2011 Inspectors: M. Marshfield, Senior Resident Inspector T. Hartman, Resident Inspector Approved by: Jamnes L. Cameron, Chief Branch 6 Division of Reactor Projects Enclosure
NPF-58 Report No:
050000440/2011011 Licensee: FirstEnergy Nuclear Operating Company (FENOC)
Facility: Perry Nuclear Power Plant, Unit 1 Location: Perry, Ohio Dates: March 23, 2011, through April 29, 2011 Inspectors:
M. Marshfield, Senior Resident Inspector T. Hartman, Resident Inspector Approved by:
Jamnes L. Cameron, Chief Branch 6 Division of Reactor Projects
 
1 Enclosure  


=SUMMARY OF FINDINGS=
=SUMMARY OF FINDINGS=
IR 05000440/2011011, 03/23/2011  
IR 05000440/2011011, 03/23/2011 - 04/29/2011; Perry Nuclear Power Plant; Temporary


- 04/29/2011; Perry Nuclear Power Plant;
Instruction 2515/183 - Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event This report covers an announced Temporary Instruction inspection. The inspection was conducted by resident inspectors. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process,
Temporary Instruction 2515/183  
Revision 4, dated December 2006.
- Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event This report covers an announced Temporary Instruction inspection. The inspection was conducted by resident inspectors.
 
The NRC's program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG
-1649, "Reactor Oversight Process," Revision 4, dated December 2006.


=INSPECTION SCOPE=
=INSPECTION SCOPE=
The intent of the TI is to provide a broad overview of the industry's preparedness for events that may exceed the current design basis for a plant.


The focus of the TI was on
The intent of the TI is to provide a broad overview of the industrys preparedness for events that may exceed the current design basis for a plant. The focus of the TI was on
: (1) assessing the licensee's capability to mitigate consequences from large fires or explosions on site,
: (1) assessing the licensees capability to mitigate consequences from large fires or explosions on site,
: (2) assessing the licensee's capability to mitigate station blackout (SBO) conditions,
: (2) assessing the licensees capability to mitigate station blackout (SBO) conditions,
: (3) assessing the licensee's capability to mitigate internal and external flooding events accounted for by the station's design, and
: (3) assessing the licensees capability to mitigate internal and external flooding events accounted for by the stations design, and
: (4) assessing the thoroughness of the licensee's walk downs and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipment's function could be lost during seismic events possible for the site.
: (4) assessing the thoroughness of the licensees walk downs and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. If necessary, a more specific follow-up inspection will be performed at a later date.
 
If necessary, a more specific follow
-up inspection will be performed at a later date.


==INSPECTION RESULTS==
==INSPECTION RESULTS==
All of the potential issues and observations identified by this inspection are contained in this report. The NRC's Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations.
All of the potential issues and observations identified by this inspection are contained in this report. The NRCs Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report.


Any resulting findings or violations will be documented by the NRC in a separate report.
03.01 Assess the licensees capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats, committed to as part of NRC Security Order Section B.5.b issued February 25, 2002, and severe accident management guidelines and as required by Title 10 of the Code of Federal Regulations (10 CFR) 50.54(hh). Use Inspection Procedure (IP) 71111.05T, Fire Protection (Triennial), Section 02.03 and 03.03 as a guideline. If IP 71111.05T was recently performed at the facility the inspector should review the inspection results and findings to identify any other potential areas of inspection. Particular emphasis should be placed on strategies related to the spent fuel pool. The inspection should include, but not be limited to, an assessment of any licensee actions to:
Licensee Action              Describe what the licensee did to test or inspect equipment.


03.01  Assess the licensee's capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats, committed to as part of NRC Security Order Section B.5.b issued February 25, 2002, and severe accident management guidelines and as required by Title 10 of the Code of Federal Regulations (10 CFR) 50.54(hh).
a. Verify through test or inspection    Licensee actions included the identification of equipment (active and passive) utilized for that equipment is available and      implementation of B.5.b actions and any additional equipment used in Severe Accident functional. Active equipment        Guidelines (SAGs). The scope of the equipment was defined as that equipment specifically shall be tested and passive          designated for B.5.b or SAG mitigation (i.e., special hoses, fittings, diesel battery charger, equipment shall be walked down      etc.). All active equipment was functionally tested. Fire pumps in place for B.5.b response and inspected. It is not            were tested with a functional water flow test. Permanent plant equipment (i.e., in situ expected that permanently            equipment) was not considered in the scope, since it is normally in service, subjected to installed equipment that is          planned maintenance, and/or checked on operator rounds. The licensee identified tested under an existing            surveillances/tests and performance frequencies for the in situ equipment determined under regulatory testing program be        this item, and reviewed the results of recent tests. Passive equipment within the scope was retested.


Use Inspection Procedure (IP) 71111.05T, "Fire Protection (Triennial)," Section 02.03 and 03.03 as a guideline.
walked down and inspected.


If IP 71111.05T was recently performed at the facility the inspector should review the inspection results and findings to identify any other potential areas of inspection. Particular emphasis should be placed on strategies related to the spent fuel pool.
Describe inspector actions taken to confirm equipment readiness (e.g., observed a This review should be done for a    test, reviewed test results, discussed actions, reviewed records, etc.).
reasonable sample of mitigating strategies/equipment.


The inspection should include, but not be limited to, an assessment of any licensee actions to:
The licensees actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensees capabilities by conducting a review of the licensees walkdown activities. In addition, the inspectors independently walked down and inspected all major B.5.b contingency response equipment staged throughout the site.
Licensee Action Describe what the licensee did to test or inspect equipment.


a. Verify through test or inspection that equipment is available and functional.
The results of the inspectors independent walkdowns agreed with the results obtained by the licensee.
 
Active equipment shall be tested and passiv e equipment shall be walked down and inspected.
 
It is not expected that permanently installed equipment that is tested under an existing regulatory testing program be retested.
 
This review should be done for a reasonable sample of mitigating strategies/equipment.
 
Licensee actions included the identification of equipment (active and passive) utilized for implementation of B.5.b actions and any additional equipment used in Severe Accident Guidelines (SAGs). The scope of the equipment was defined as that equipment specifically designated for B.5.b or SAG mitigation (i.e., special hoses, fittings, diesel battery charger, etc.). All active equipment was functionally tested. Fire pumps in place for B.5.b response were tested with a functional water flow test. Permanent plant equipment (i.e., in situ equipment) was not considered in the scope, since it is normally in service, subjected to planned maintenance, and/or checked on operator rounds. The licensee identified surveillances/tests and performance frequencies for the in situ equipment determined under this item, and reviewed the results of recent tests. Passive equipment within the scope was walked down and inspected.
 
Describe inspector actions taken to confirm equipment readiness (e.g., observed a test, reviewed test results, discussed actions, reviewed records, etc.).
The licensee's actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensee's capabilities by conducting a review of the licensee's walkdown activities. In addition, the inspectors independently walked down and inspected all major B.5.b contingency response equipment staged throughout the site. The results of the inspectors' independent walkdowns agreed with the results obtained by the licensee.


Discuss general results including corrective actions by licensee.
Discuss general results including corrective actions by licensee.
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All equipment (active and passive) designated to support B.5.b procedure requirements was verified by the licensee to be available and properly located. All passive equipment was walked down and verified to be in place and ready for use. Passive equipment which had surveillance and/or preventative maintenance tasks had those activities performed to verify readiness for use.
All equipment (active and passive) designated to support B.5.b procedure requirements was verified by the licensee to be available and properly located. All passive equipment was walked down and verified to be in place and ready for use. Passive equipment which had surveillance and/or preventative maintenance tasks had those activities performed to verify readiness for use.


All active equipment located at the site was verified in place by the licensee. The licensee retested all active equipment; flow testing was performed on designated B.5.b transportable fire pum p s.
All active equipment located at the site was verified in place by the licensee. The licensee retested all active equipment; flow testing was performed on designated B.5.b transportable fire pumps.
 
Licensee Action Describe the licensee's actions to verify that procedures are in place and can be executed (e.g. walkdowns, demonstrations, tests, etc.)


b. Verify through walkdowns or demonstration that procedures to implement the strategies associated with B.5.b and
Describe the licensees actions to verify that procedures are in place and can be Licensee Action executed (e.g. walkdowns, demonstrations, tests, etc.)


10 CFR 50.54(hh) are in place and are executable. Licensees may choose not to connect or operate permanently installed equipment during this verification.
b. Verify through walkdowns or      Licensee actions included the identification of those procedures utilized to mitigate the demonstration that procedures    consequences of a B.5.b-related event and severe accidents. The licensee then compiled to implement the strategies      verification documentation for procedure validations and identified any procedures not associated with B.5.b and        issued or validated and any with open change requests. Open change requests were 10 CFR 50.54(hh) are in place   reviewed for potential impacts on procedure functionality. Walkdowns were performed on and are executable. Licensees   all identified procedures that utilize non-plant equipment or that specify lifted leads or may choose not to connect or     jumpers for permanent plant equipment.


This review should be done for a reasonable sample of mitigating strategies/equipment.
operate permanently installed    Describe inspector actions and the sample strategies reviewed. Assess whether equipment during this            procedures were in place and could be used as intended.


Licensee actions included the identification of those procedures utilized to mitigate the consequences of a B.5.b
verification.
-related event and severe accidents. The licensee then compiled verification documentation for procedure validations and identified any procedures not issued or validated and any with open change requests. Open change requests were reviewed for potential impacts on procedure functionality.


Walkdowns were performed on all identified procedures that utilize non
The licensees actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensees capabilities by conducting a review of This review should be done for a the licensees walkdown activities. In addition, the inspectors selected a sample of the reasonable sample of mitigating  procedures walked down by the licensee and walked those down independently to verify the strategies/equipment.
-plant equipment or that specify lifted leads or jumpers for permanent plant equipment.


Describe inspector actions and the sample strategies reviewed. Assess whether procedures were in place and could be used as intended.
licensees conclusions. The procedures walked down by the inspectors showed no discrepancies which had not been previously identified by the licensee and entered into the corrective action program (CAP).
 
The licensee's actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensee's capabilities by conducting a review of the licensee's walkdown activities. In addition, the inspectors selected a sample of the procedures walked down by the licensee and walked those down independently to verify the licensee's conclusions. The procedures walked down by the inspectors show ed no discrepancies which had not been previously identified by the licensee and entered into the corrective action program (CAP).


Discuss general results including corrective actions by licensee.
Discuss general results including corrective actions by licensee.
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The licensee reviewed the site SAG strategies and did not identify any issues. Procedures used for B.5.b were reviewed by the licensee and walkdowns were performed by operators to ensure actions taken in the field in response to a B.5.b event could be performed. Open procedure change requests were reviewed by the licensee to verify that there were no immediate procedure changes required. Two changes were identified by the licensee as having potential impact on operator response to a situation because the changes correct erroneous equipment locations identified in the procedures. The licensee upgraded the priority of these two change requests. Some minor enhancements were identified by the licensee and entered into the CAP. Specific condition reports (CRs) are listed in section 03.01(e) below.
The licensee reviewed the site SAG strategies and did not identify any issues. Procedures used for B.5.b were reviewed by the licensee and walkdowns were performed by operators to ensure actions taken in the field in response to a B.5.b event could be performed. Open procedure change requests were reviewed by the licensee to verify that there were no immediate procedure changes required. Two changes were identified by the licensee as having potential impact on operator response to a situation because the changes correct erroneous equipment locations identified in the procedures. The licensee upgraded the priority of these two change requests. Some minor enhancements were identified by the licensee and entered into the CAP. Specific condition reports (CRs) are listed in section 03.01(e) below.


Licensee Action Describe the licensee's actions and conclusions regarding training and qualifications of operators and support staff.
Describe the licensees actions and conclusions regarding training and qualifications Licensee Action of operators and support staff.


c. Verify the training and qualifications of operators and the support staff needed to implement the procedures and work instructions are current for activities related to Security Order Section B.5.b and severe accident management guidelines as required by 10 CFR 50.54 (hh).
c. Verify the training and           Licensee actions included the identification of training/qualification requirements for qualifications of operators and   operators for the implementation of actions needed to mitigate a B.5.b-related event, and for the support staff needed to       the implementation of actions needed for SAG processes. The licensee documented that implement the procedures and     operator training requirements were current.


Licensee actions included the identification of training/qualification requirements for operators for the implementation of actions needed to mitigate a B.5.b
work instructions are current for activities related to Security    In addition, the licensee identified the training/qualification requirements for applicable Order Section B.5.b and severe    emergency response organization (ERO) command and support staff, including security accident management              personnel, for the implementation of actions needed to mitigate a B.5.b-related event and guidelines as required by        SAG processes. The licensee also verified that ERO command and support staff training 10 CFR 50.54 (hh).
-related event, and for the implementation of actions needed for SAG processes. The licensee documented that operator training requirements were current.


In addition, the licensee identified the training/qualification requirements for applicable emergency response organization (ERO) command and support staff, including security personnel , for the implementation of actions needed to mitigate a B.5.b
requirements were current.
-related event and SA G processes. The licensee also verified that ERO command and support staff training requirements were current.


Describe inspector actions and the sample strategies reviewed to assess training and qualifications of operators and support staff The licensee's actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensee's training and qualification activities by conducting a review of training and qualification materials and records related to B.5.b and SAG event response.
Describe inspector actions and the sample strategies reviewed to assess training and qualifications of operators and support staff The licensees actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensees training and qualification activities by conducting a review of training and qualification materials and records related to B.5.b and SAG event response.


Discuss general results including corrective actions by licensee.
Discuss general results including corrective actions by licensee.


The training requirements, qualifications, and associated records needed for operators for the implementation of SAGs and B.5.b event response were reviewed by the licensee. Training was identified for shift managers, shift engineers, unit supervisors, reactor operators and non
The training requirements, qualifications, and associated records needed for operators for the implementation of SAGs and B.5.b event response were reviewed by the licensee.
-licensed operators. The licensee verified that training requirements were embedded within the position qualifications for operators. The licensee confirmed that all shift operators verify their qualifications prior to assuming a shift position. The training requirements, qualifications, and associated records needed for ERO command and support staff for the implementation of actions needed to mitigate a B.5.b event or implement the SAGs were also reviewed. All ERO command and support staff training requirements were verified as current by the licensee.
 
Training was identified for shift managers, shift engineers, unit supervisors, reactor operators and non-licensed operators. The licensee verified that training requirements were embedded within the position qualifications for operators. The licensee confirmed that all shift operators verify their qualifications prior to assuming a shift position. The training requirements, qualifications, and associated records needed for ERO command and support staff for the implementation of actions needed to mitigate a B.5.b event or implement the SAGs were also reviewed. All ERO command and support staff training requirements were verified as current by the licensee.
 
Describe the licensees actions and conclusions regarding applicable agreements Licensee Action and contracts are in place.


Licensee Action Describe the licensee's actions and conclusions regarding applicable agreements and contracts are in place.
d. Verify that any applicable      Licensee actions included the identification of all applicable contracts and agreements agreements and contracts are in committed to be in place for the mitigation of a B.5.b-related event. The licensee verified place and are capable of        that the contracts and agreements were current and documented whether or not the meeting the conditions needed    contracts/agreements were capable of meeting the mitigation strategy.


d. Verify that any applicable agreements and contracts are in place and are capable of meeting the conditions needed to mitigate the consequences of these events.
to mitigate the consequences of For a sample of mitigating strategies involving contracts or agreements with offsite these events.


This review should be done for a reasonable sample of mitigating strategies/equipment.
entities, describe inspector actions to confirm agreements and contracts are in place and current (e.g., confirm that offsite fire assistance agreement is in place and This review should be done for a current).


Licensee actions included the identification of all applicable contracts and agreements committed to be in place for the mitigation of a B.5.b
reasonable sample of mitigating  The licensees actions as discussed above were completed prior to the issuance of NRC strategies/equipment.
-related event. The licensee verified that the contracts and agreements were current and documented whether or not the contracts/agreements were capable of meeting the mitigation strategy.


For a sample of mitigating strategies involving contracts or agreements with offsite entities, describe inspector actions to confirm agreements and contracts are in place and current (e.g., confirm that offsite fire assistance agreement is in place and current). The licensee's actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensee's capabilities by conducting a n independent review of the licensee's emergency response agreement with local counties and the standing mutual aid scheme in Ohio, Mutual Aid Box Alarm System, and the State of Ohio Emergency Response Plan. The licensee also maintains several emergency response agreements including with surrounding counties and fire agencies which support mitigation of events at the site. These agreements were verified to be current.
TI 2515/183. The inspectors assessed the licensees capabilities by conducting an independent review of the licensees emergency response agreement with local counties and the standing mutual aid scheme in Ohio, Mutual Aid Box Alarm System, and the State of Ohio Emergency Response Plan. The licensee also maintains several emergency response agreements including with surrounding counties and fire agencies which support mitigation of events at the site. These agreements were verified to be current.


Discuss general results including corrective actions by licensee.
Discuss general results including corrective actions by licensee.
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Licensee review of Letters of Agreement and Grant Agreements were found to be current and in place to support mitigation of security threats and mitigation strategies for other on-site events.
Licensee review of Letters of Agreement and Grant Agreements were found to be current and in place to support mitigation of security threats and mitigation strategies for other on-site events.


Licensee Action Document the corrective action report number and briefly summarize problems noted by the licensee that have significant potential to prevent the success of any existing mitigating strategy.
Document the corrective action report number and briefly summarize problems noted Licensee Action                by the licensee that have significant potential to prevent the success of any existing mitigating strategy.
 
e. Review any open corrective            The following entries into the licensees CAP were made in response to issues identified in action documents to assess            Section 03.01:
problems with mitigating strategy implementation                CR 11-91320    ONI-ZZZ-7 Spare vs. Future Breaker identified by the licensee.
 
CR 11-91328    EOP-SPI-1.8 ABI Hose Casing Damaged Assess the impact of the              CR 11-91401    B5b Air Compressor Start Procedure problem on the mitigating              CR 11-91481    ONI-SPI-D10 Equipment Lists Wrong Size Socket capability and the remaining          CR 11-91482    FPI-A-T03 Champion Fire Pump Procedure Enhancements capability that is not impacted.


e. Review any open corrective action documents to assess problems with mitigating strategy implementation identified by the licensee. Assess the impact of the problem on the mitigating capability and the remaining capability that is not impacted.
CR 11-91492    ONI-SPI-D10 Items Not Inventoried by a PM CR 11-91495    ONI-ZZZ-7 Procedure Enhancements; Jumper Cable Staging CR 11-91583    ONI-SPI-A7 Enhancement for Locations at Remote S/D Panel CR 11-91638    Foam Trailers Not on a PM CR 11-91714    MARCS Radio Not Answered During Test w/ Dispatch The inspectors reviewed each CR for potential impact to the licensees mitigation strategies.


The following entries into the licensee's CAP were made in response to issues identified in Section 03.01:
No significant impacts were identified.
CR 1 1-91320  ONI-ZZZ-7 Spare vs. Future Breaker  CR 11-91328  EOP-SPI-1.8 ABI Hose Casing Damaged  CR 11-91401  B5b Air Compressor Start Procedure  CR 11-91481  ONI-SPI-D10 Equipment Lists Wrong Size Socket  CR 11-91482  FPI-A-T03 Champion Fire Pump Procedure Enhancements CR 11-91492  ONI-SPI-D10 Items Not Inventoried by a PM CR 11-91495  ONI-ZZZ-7 Procedure Enhancements; Jumper Cable Staging  CR 11-91583  ONI-SPI-A7 Enhancement for Locations at Remote S/D Panel  CR 11-91638  Foam Trailers Not on a PM CR 11-91714  MARCS Radio Not Answered During Test w/ Dispatch The inspectors reviewed each CR for potential impact to the licensee's mitigation strategies. No significant impacts were identified.


03.02 Assess the licensee's capability to mitigate station blackout (SBO) conditions, as required by 10 CFR 50.63, "Loss of All Alternating Current Power," and station design, is functional and valid. Refer to TI 2515/120, "Inspection of Implementation of Station Blackout Rule Multi
03.02 Assess the licensees capability to mitigate station blackout (SBO) conditions, as required by 10 CFR 50.63, Loss of All Alternating Current Power, and station design, is functional and valid. Refer to TI 2515/120, Inspection of Implementation of Station Blackout Rule Multi-Plant Action Item A-22 as a guideline. It is not intended that TI 2515/120 be completely reinspected. The inspection should include, but not be limited to, an assessment of any licensee actions to:
-Plant Action Item A
Describe the licensees actions to verify the adequacy of equipment needed to Licensee Action mitigate an SBO event.
-22" as a guideline. It is not intended that TI 2515/120 be completely reinspected. The inspection should include, but not be limited to, an assessment of any licensee actions to:
Licensee Action Describe the licensee's actions to verify the adequacy of equipment needed to mitigate an SBO event.


a. Verify through walkdowns and inspection that all required materials are adequate and properly staged, tested, and maintained.
a. Verify through walkdowns and           Licensee actions included the identification of equipment utilized/required for mitigation of inspection that all required           an SBO. The licensee then conducted walkdowns of this equipment to ensure they were materials are adequate and             adequate and properly staged. Additionally, the licensee also conducted a review of open properly staged, tested, and           CAP items for potential SBO equipment impact.


Licensee actions included the identification of equipment utilized/required for mitigation of a n SBO. The licensee then conducted walkdowns of this equipment to ensure they were adequate and properly staged. Additionally, the licensee also conducted a review of open CAP items for potential SBO equipment impact.
maintained.


Describe inspector actions to verify equipment is available and useable.
Describe inspector actions to verify equipment is available and useable.


The inspectors assessed the licensee's capability to mitigate SBO conditions by conducting a review of the licensee's walkdown activities. In addition, the inspectors selected a sample of equipment utilized/required for mitigation of a n SBO and conducted independent walkdowns of that equipment to verify that the equipment was properly aligned and staged. The sample of equipment selected by the inspectors included those necessary to complete actions required by the following procedures:  Off- Normal Instruction (ONI) R
The inspectors assessed the licensees capability to mitigate SBO conditions by conducting a review of the licensees walkdown activities. In addition, the inspectors selected a sample of equipment utilized/required for mitigation of an SBO and conducted independent walkdowns of that equipment to verify that the equipment was properly aligned and staged.
-10 "Loss of AC Power;" ONI-Special Plant Instruction (SPI) A
-7, "RCIC Emergency Operation
;" and ONI-SPI D-10, "Hydrogen Igniter Emergency Operation
." Discuss general results including corrective actions by licensee.


The licensee determined that procedures for response to a n SBO which are implemented through ONI R
The sample of equipment selected by the inspectors included those necessary to complete actions required by the following procedures: Off- Normal Instruction (ONI) R-10 Loss of AC Power; ONI-Special Plant Instruction (SPI) A-7, RCIC Emergency Operation; and ONI-SPI D-10, Hydrogen Igniter Emergency Operation.
-10, "Loss of AC Power," were adequate and materials were properly staged to support actions required by procedures. Minor discrepancies with required tools lists (all tools required were present but lists were deficient) and enhancements to procedures were identified and documented in the CAP for the licensee as follows:
CR 11-92018 ONI-SPI-A6, B6 Needs an Additional Tool
- Adjustable Wrench CR 11-92207 Not A ll Items Used in ONI
-SPI-A6, B6 on PM Inventory  CR 11-91755 Div 3 DG Overspeed Reset Posted Aid Not as Detailed as CR 11-91756 Labels on ED1C Degraded  CR 11-91964 LPCS Flush Connection Not Labeled  Licensee Action Describe the licensee's actions to verify the capability to mitigate an SBO event.


b. Demonstrate through walkdowns that procedures for response to an SBO are executable.
Discuss general results including corrective actions by licensee.


Licensee actions included the identification of procedures required for response to a n SBO, along with verification that the identified procedures were current and that no critical revision requests were in place. The licensee then verified that the mitigating procedures had been properly validated. Additionally, the licensee also conducted a review of open CAP items for potential impact to SBO procedures.
The licensee determined that procedures for response to an SBO which are implemented through ONI R-10, Loss of AC Power, were adequate and materials were properly staged to support actions required by procedures. Minor discrepancies with required tools lists (all tools required were present but lists were deficient) and enhancements to procedures were identified and documented in the CAP for the licensee as follows:
CR 11-92018 ONI-SPI-A6, B6 Needs an Additional Tool - Adjustable Wrench CR 11-92207 Not All Items Used in ONI-SPI-A6, B6 on PM Inventory CR 11-91755 Div 3 DG Overspeed Reset Posted Aid Not as Detailed as Attachment CR 11-91756 Labels on ED1C Degraded CR 11-91964 LPCS Flush Connection Not Labeled Licensee Action          Describe the licensees actions to verify the capability to mitigate an SBO event.
 
b. Demonstrate through          Licensee actions included the identification of procedures required for response to an SBO, walkdowns that procedures for along with verification that the identified procedures were current and that no critical revision response to an SBO are        requests were in place. The licensee then verified that the mitigating procedures had been executable.
 
properly validated. Additionally, the licensee also conducted a review of open CAP items for potential impact to SBO procedures.


Describe inspector actions to assess whether procedures were in place and could be used as intended.
Describe inspector actions to assess whether procedures were in place and could be used as intended.


The inspectors assessed the licensee's capabilities by conducting a review of the licensee's walkdown activities. In addition, the inspectors selected a sample of the procedures walked down by the licensee and walked those down to independently verify the licensee's conclusions.
The inspectors assessed the licensees capabilities by conducting a review of the licensees walkdown activities. In addition, the inspectors selected a sample of the procedures walked down by the licensee and walked those down to independently verify the licensees conclusions. The procedures reviewed by the inspectors included: ONI R-10 Loss of AC Power; ONI- SPI A-7, RCIC Emergency Operation; and ONI-SPI D-10, Hydrogen Igniter Emergency Operation.


The procedures reviewed by the inspectors included:
ONI R-10 "Loss of AC Power;" ONI- SPI A-7, "RCIC Emergency Operation
;" and ONI-SPI D-10, "Hydrogen Igniter Emergency Operation
."
Discuss general results including corrective actions by licensee.
Discuss general results including corrective actions by licensee.


The licensee procedure utilized to respond to a n SBO is ONI R-10, "Loss of AC Power.
The licensee procedure utilized to respond to an SBO is ONI R-10, Loss of AC Power.


Additionally a combination of ONIs and Emergency Operating Procedures, were identified for walkdowns. All procedures were found to be executable as written. Several enhancements were identified and captured in the CAP as follows:
Additionally a combination of ONIs and Emergency Operating Procedures, were identified for walkdowns. All procedures were found to be executable as written. Several enhancements were identified and captured in the CAP as follows:
CR 11-92499 Procedure Enhancements Identified for Increased Priority CR 11-91740 ONI-SPI-B4 Component Location Not Correct CR 11-91741 ONI-SPI-F5 Component Location Not Correct CR 11-91844 ONI-SPI-H1, H2 Enhancements CR 11-91856 ONI-SPI-C3 Human Performance Improvements 03.03 Assess the licensee's capability to mitigate internal and external flooding events required by station design. Refer to IP 71111.01, "Adverse Weather Protection," Section 02.04, "Evaluate Readiness to Cope with External Flooding" as a guideline. The inspection should include, but not be limited to, an assessment of any licensee actions to verify through walkdowns and inspections that all required materials and equipment are adequate and properly staged. These walkdowns and inspections shall include verification that accessible doors, barriers, and penetration seals are functional.
CR 11-92499 Procedure Enhancements Identified for Increased Priority CR 11-91740 ONI-SPI-B4 Component Location Not Correct CR 11-91741 ONI-SPI-F5 Component Location Not Correct CR 11-91844 ONI-SPI-H1, H2 Enhancements CR 11-91856 ONI-SPI-C3 Human Performance Improvements 03.03 Assess the licensees capability to mitigate internal and external flooding events required by station design. Refer to IP 71111.01, Adverse Weather Protection, Section 02.04, Evaluate Readiness to Cope with External Flooding as a guideline. The inspection should include, but not be limited to, an assessment of any licensee actions to verify through walkdowns and inspections that all required materials and equipment are adequate and properly staged. These walkdowns and inspections shall include verification that accessible doors, barriers, and penetration seals are functional.


Licensee Action Describe the licensee's actions to verify the capability to mitigate existing design basis flooding events.
Describe the licensees actions to verify the capability to mitigate existing design Licensee Action basis flooding events.


a. Verify through walkdowns and inspection that all required materials are adequate and properly staged, tested, and maintained.
a. Verify through walkdowns and           Licensee actions included the identification of equipment and penetration seals inspection that all required           utilized/required for mitigation of internal and external flooding. The licensee then materials are adequate and              conducted walkdowns of this equipment to ensure it was adequate and properly staged.


Licensee actions included the identification of equipment and penetration seals utilized/required for mitigation of internal and external flooding. The licensee then conducted walkdowns of this equipment to ensure it was adequate and properly staged.
properly staged, tested, and            The primary equipment credited for flood mitigation in Perry design analyses are room and maintained.


The primary equipment credited for flood mitigation in Perry design analyses are room and su m p level detectors and sump pump running alarms (level switches or transmitters that ac t uate control room annunciation windows to alert the operators
sump level detectors and sump pump running alarms (level switches or transmitters that actuate control room annunciation windows to alert the operators). Credited equipment drains were walked down and determined to be functional. Doors, barriers, and penetration seals that are utilized for mitigation of flooding were identified and checked to see if they were routinely inspected to ensure functionality. Where routine inspections were not performed or could not be relied upon to ensure functionality, the licensee performed walkdowns and inspections to ensure that the components were functional.
). Credited equipment drains were walked down and determined to be functional. Doors, barriers, and penetration seals that are utilized for mitigation of flooding were identified and checked to see if they were routinely inspected to ensure functionality. Where routine inspections were not performed or could not be relied upon to ensure functionality, the licensee performed walkdowns and inspections to ensure that the components were functional.


Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.
Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.


The inspectors assessed the licensee's capabilities to mitigate flooding by conducting a review of the licensee's walkdown activities.
The inspectors assessed the licensees capabilities to mitigate flooding by conducting a review of the licensees walkdown activities. In addition, the inspectors conducted independent walkdowns of selected flood mitigation equipment to review the overall assessment of the licensees flood mitigating capabilities. Licensee flood mitigation procedures were reviewed to verify usability. An external plant walkdown was conducted to review site external flood potential and licensee mitigation strategies. The inspectors' reviews were consistent with the licensee conclusions of functionality.


In addition, the inspectors conduct ed independent walkdowns of selected flood mitigation equipment to review the overall assessment of the licensee's flood mitigating capabilities. Licensee flood mitigation procedures were reviewed to verify usability. An external plant walkdown was conducted to review site external flood potential and licensee mitigation strategies. The inspectors
Discuss general results including corrective actions by licensee.
' review s w e r e c o n s i s t e n t with the licensee conclusions of functionality.


Discuss general results including corrective actions by licensee.
The licensee determined that, with a couple of minor deficiencies, all doors barriers and penetration seals relied on for internal flooding control and mitigation of external flooding events are tested on a periodic basis which supports the functionality of the equipment.
 
Deficiencies noted were captured in the CAP as follows:
CR 11-92019 Turbine Building to Heater Bay Wall Penetration Blocked CR 11-92037 Potential Flooding Concern HB 620 CR 11-92215 Degraded Intermediate Building Floor Penetrations CR 11-92301 Flooding Vulnerability for Items Stored At and Near the Swale CR 11-92425 Vulnerability for Flood Barriers at Safety Electrical Manholes CR 11-92555 Penetration Seals Not Inspected Due to Location or Rad Levels 03.04 Assess the thoroughness of the licensees walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. Assess the licensees development of any new mitigating strategies for identified vulnerabilities (e.g., entered it in to the CAP and any immediate actions taken). At a minimum, the licensee should have performed walkdowns and inspections of important equipment (permanent and temporary) such as storage tanks, plant water intake structures, and fire and flood response equipment; and developed mitigating strategies to cope with the loss of that important function. Use IP 71111.21, Component Design Basis Inspection, Appendix 3, Component Walkdown Considerations, as a guideline to assess the thoroughness of the licensees walkdowns and inspections.
 
Describe the licensees actions to assess the potential impact of seismic events on Licensee Action the availability of equipment used in fire and flooding mitigation strategies.
 
a. Verify through walkdowns that Licensee actions included the identification of equipment utilized/required for mitigation of all required materials are    fire and flood events. Seismic vulnerabilities, including storage locations, were identified, adequate and properly staged, along with mitigating strategies for equipment that was not seismically qualified. The tested, and maintained.


The licensee determined that, with a couple of minor deficiencies, all doors barriers  and penetration seals relied on for internal flooding control and mitigation of external flooding events are tested on a periodic basis which supports the functionality of the equipment.
licensee identified that portions of fire suppression system piping which provide fire protection to nuclear plant support systems is seismically qualified and can be supplied from the seismically qualified backup system, which is Emergency Service Water, through various points of interconnection.


Deficiencies noted were captured in the CAP as follows
Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.
:  CR 11-92019  Turbine Building to Heater Bay Wall Penetration Blocked CR 11-92037  Potential Flooding Concern HB 620' CR 11-92215  Degraded Intermediate Building Floor Penetrations CR 11-92301  Flooding Vulnerability for Items Stored At and Near the Swale CR 11-92425  Vulnerability for Flood Barriers at Safety Electrical Manholes CR 11-92555  Penetration Seals Not Inspected Due to Location or Rad Levels 03.04  Assess the thoroughness of the licensee's walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipment's function could be lost during seismic events possible for the site.


Assess the licensee's development of any new mitigating strategies for identified vulnerabilities (e.g., entered it in to the CAP and any immediate actions taken).
The inspectors conducted independent walkdowns of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during a seismic event. This equipment included, but was not limited to: major B.5.b contingency response equipment staged throughout the site; installed fire protection and suppression equipment in the Intermediate Building and Control Complex; and installed diesel and electric fire pumps and their controls.


At a minimum, the licensee should have performed walkdowns and inspections of important equipment (permanent and temporary) such as storage tanks, plant water intake structures, and fire and flood response equipment; and developed mitigating strategies to cope with the loss of that important function. Use IP 71111.21, "Component Design Basis Inspection," Appendix 3, "Component Walkdown Considerations," as a guideline to assess the thoroughness of the licensee's walkdowns and inspections.
Licensee flood and fire mitigation procedures were reviewed to verify usability. The results of the inspectors reviews were consistent with the licensees conclusions that there were a number of seismic vulnerabilities that potentially need to be addressed.


Licensee Action Describe the licensee's actions to assess the potential impact of seismic events on the availability of equipment used in fire and flooding mitigation strategies.
Discuss general results including corrective actions by the licensee. Briefly summarize any new mitigating strategies identified by the licensee as a result of their reviews.


a. Verify through walkdowns that all required materials are adequate and properly staged, tested, and maintained.
Seismically qualified is defined as the safety-related structure, system and component (SSCs) that have been formally qualified to function during and after a design basis earthquake, as applicable. The licensees reviews for this issue determined that non-safety related SSCs, in general, were not considered to be either seismically qualified or seismically rugged due to a wide variety of issues. The majority of room flood mitigation sump pumps and flooding detectors were not designed as seismically qualified and have not been evaluated as being seismically rugged. Similarly, the vast majority of the fire protection system, including both installed fire pumps, was not designed as seismically qualified and cannot be considered seismically rugged. Firefighting equipment staged to respond to B.5.b events was not stowed in seismically qualified buildings and locations, as a seismic event and B.5.b event have never been assumed to occur coincidentally.


Licensee actions included the identification of equipment utilized/required for mitigation of fire and flood events. Seismic vulnerabilities, including storage locations, were identified, along with mitigating strategies for equipment that was not seismically qualified
The licensees reviews identified instances where response capability could be enhanced.
. The licensee identified that portions of fire suppression system piping which provide fire protection to nuclear plant support systems is seismically qualified and can be supplied from the seismically qualified backup system
, which is Emergency Service Water
, through various points of interconnection.


Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.
These included developing additional mitigation strategies, reviewing the locations of portable equipment, and reviewing the need for supplemental portable equipment to compensate for the possible loss of the fire water headers, the fire pumps, and much of the fire suppression system piping.


The inspectors conducted independent walkdowns of important equipment needed to mitigate fire and flood events to identify the potential that the equipment's function could be lost during a seismic event. This equipment included, but was not limited to:
Further, reviews by the licensee identified that, in the event of a postulated earthquake, equipment may not function properly due to loss of essential power or being subjected to physical displacement. An existing mitigation strategy of conducting station surveys per the emergency plan and manning the emergency response organization following a seismic event was considered presently sufficient by the licensee. Further mitigation strategies, the licensee determined, will entail following industry recommendations from other plants that have identified similar beyond-design-bases vulnerabilities. The licensee entered the following minor issues into their CAP:
major B.5.b contingency response equipment staged throughout the site
CR 11-92349 Scaffold Lay Down Area in IB Around Fire Protection Piping CR 11-92350 Three Scaffold Builds are Around Fire Piping CR 11-92352 Two Fire Protection Valves Noted to Have Packing Gland Leaks CR 11-92355 Fire Protection Piping Leaks Were Noted CR 11-92464 Some Equipment Racks in the SB-620' Brigade Station May Topple in Seismic Event. Should Be Fastened to Wall.
; installed fire protection and suppression equipment in the Intermediate Building and Control Complex; and installed diesel and electric fire pumps and their controls.


Licensee flood and fire mitigation procedures were reviewed to verify usability. The results of the inspectors' reviews were consistent with the licensee's conclusions that there were a number of seismic vulnerabilities that potentially need to be address e d. Discuss general results including corrective actions by the licensee. Briefly summarize any new mitigating strategies identified by the licensee as a result of their reviews.
CR 11-92349 Two Fire Protection Isolation Valves Were Noted to Have Packing Leaks.


"Seismically qualified" is defined as the safety
CR 11-92350 Three Scaffold Builds Were Noted to Be Built Around / Near Fire Protection Piping.
-related structure, system and component (SSCs) that have been formally qualified to function during and after a design basis earthquake, as applicable. The licensee's reviews for this issue determined that non
-safety related SSCs, in general, were not considered to be either seismically qualified or seismically rugged due to a wide variety of issues. The majority of room flood mitigation sump pumps and flooding detectors were not designed as seismically qualified and have not been evaluated as being seismically rugged. Similarly, the vast majority of the fire protection system, including both installed fire pumps, was not designed as seismically qualified and cannot be considered seismically rugged. Firefighting equipment staged to respond to B.5.b events was not stowed in seismically qualified buildings and locations, as a seismic event and B.5.b event have never been assumed to occur coincidentally.


The licensee's reviews identified instances where response capability could be enhanced. These included developing additional mitigation strategies, reviewing the locations of portable equipment, and reviewing the need for supplemental portable equipment to compensate for the possible loss of the fire water headers, the fire pumps, and much of the fire suppression system piping.
CR 11-92410 Some Minor Deficiencies Noted on ESW Pump House Fire Piping.


Further, reviews by the licensee identified that
CR 11-92365 Scaffold Lay Down Area in CC in Close Proximity to Fire Protection Piping.
, in the event of a postulated earthquake , equipment may not function properly due to loss of essential power or being subjected to physical displacement.


An existing mitigation strategy of conducting station surveys per the emergency plan and man ni n g the emergency response organization following a seismic event was considered presently sufficient by the licensee.
CR 11-92366 Scaffold Storage Area on 574 Elevation of Control Complex in Close Proximity to Fire Protection Piping and Associated Hose Reel.


Further mitigation strategies, the licensee determined, will entail following industry recommendations from other plants that have identified similar beyond
CR 11-92557 Components Inaccessible for Walkdown.
-design-bases vulnerabilities. The licensee entered the following minor issues into their CAP
:  CR 11-92349  Scaffold Lay Down Area in IB Around Fire Protection Piping CR 11-92350  Three Scaffold Builds are Around Fire Piping CR 11-92352  Two Fire Protection Valves Noted to Have Packing G land Leaks CR 11-92355  Fire Protection Piping Leaks Were Noted CR 11-92464  Some Equipment Racks in the SB
-620' Brigade Station May T opple in Seismic Event. Should Be Fastened to Wall. CR 11-92349  Two Fire Protection Isolation Valves Were Noted to Have Packing Leaks. CR 11-92350  Three Scaffold Builds Were Noted to Be Built Around / Near Fire Protection Piping. CR 11-92410  Some Minor Deficiencie s Noted on ESW Pump House Fire Piping. CR 11-92365  Scaffold Lay Down Area in CC in Close Proximity to Fire Protection Piping. CR 11-92366  Scaffold Storage Area on 574' Elevation of Control Complex in Close Proximity to Fire Protection Piping and Associated Hose Reel. CR 11-92557 Components Inaccessible for Walkdown.


Meetings Exit Meeting The inspectors presented the inspection results to Mr. Mark Bezilla and other members of licensee management on Ma y 6, 2011. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was identified.
Meetings Exit Meeting The inspectors presented the inspection results to Mr. Mark Bezilla and other members of licensee management on May 6, 2011. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was identified.


=SUPPLEMENTAL INFORMATION=
=SUPPLEMENTAL INFORMATION=
Line 269: Line 230:
==KEY POINTS OF CONTACT==
==KEY POINTS OF CONTACT==


Licensee  
Licensee
: [[contact::M. Bezilla]], Site Vice President
: [[contact::M. Bezilla]], Site Vice President
: [[contact::K. Krueger]], Plant General Manager  
: [[contact::K. Krueger]], Plant General Manager
: [[contact::J. Grabnar]], Site Engineering
: [[contact::J. Grabnar]], Site Engineering Director
Director  
: [[contact::H. Hanson]], Performance Improvement Director
: [[contact::H. Hanson]], Performance Improvement Director
: [[contact::T. Jardine]], Operations Manager
: [[contact::T. Jardine]], Operations Manager
: [[contact::L. Lindros]], Site Security Manager
: [[contact::L. Lindros]], Site Security Manager
: [[contact::M. Stevens]], Maintenance Director
: [[contact::M. Stevens]], Maintenance Director
Enclosure


Enclosure 
==LIST OF DOCUMENTS REVIEWED==
==LIST OF DOCUMENTS REVIEWED==


}}
}}

Latest revision as of 00:43, 13 November 2019

IR 05000440-11-011, on 03/23/2011 - 04/29/2011, Perry Nuclear Power Plant, Temporary Instruction 2515/183 - Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event
ML111320382
Person / Time
Site: Perry FirstEnergy icon.png
Issue date: 05/13/2011
From: Jamnes Cameron
NRC/RGN-III/DRP/B6
To: Bezilla M
FirstEnergy Nuclear Operating Co
References
IR-11-011
Download: ML111320382 (21)


Text

May 13, 2011

SUBJECT:

PERRY NUCLEAR POWER PLANT - NRC TEMPORARY INSTRUCTION 2515/183 INSPECTION REPORT 050000440/2011011

Dear Mr. Bezilla:

On April 29, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Perry Nuclear Power Plant, using Temporary Instruction 2515/183, Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event. The enclosed inspection report documents the inspection results which were discussed on May 6, 2011, with you and other members of your staff.

The objective of this inspection was to promptly assess the capabilities of Perry Nuclear Power Plant to respond to extraordinary consequences similar to those that have recently occurred at the Japanese Fukushima Daiichi Nuclear Station. The results from this inspection, along with the results from this inspection performed at other operating commercial nuclear plants in the United States, will be used to evaluate the U.S. nuclear industrys readiness to safely respond to similar events. These results will also help the NRC to determine if additional regulatory actions are warranted.

All of the potential issues and observations identified by this inspection are contained in this report. The NRCs Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report. You are not required to respond to this letter. In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Sincerely,

/RA/

Jamnes L. Cameron, Chief Branch 6 Division of Reactor Projects Docket No. 50-440 License No. NPF-58

Enclosure:

Inspection Report 050000440/2011011 w/Attachment: Supplemental Information

REGION III==

Docket No: 50-440 License No: NPF-58 Report No: 050000440/2011011 Licensee: FirstEnergy Nuclear Operating Company (FENOC)

Facility: Perry Nuclear Power Plant, Unit 1 Location: Perry, Ohio Dates: March 23, 2011, through April 29, 2011 Inspectors: M. Marshfield, Senior Resident Inspector T. Hartman, Resident Inspector Approved by: Jamnes L. Cameron, Chief Branch 6 Division of Reactor Projects Enclosure

SUMMARY OF FINDINGS

IR 05000440/2011011, 03/23/2011 - 04/29/2011; Perry Nuclear Power Plant; Temporary

Instruction 2515/183 - Followup to the Fukushima Daiichi Nuclear Station Fuel Damage Event This report covers an announced Temporary Instruction inspection. The inspection was conducted by resident inspectors. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process,

Revision 4, dated December 2006.

INSPECTION SCOPE

The intent of the TI is to provide a broad overview of the industrys preparedness for events that may exceed the current design basis for a plant. The focus of the TI was on

(1) assessing the licensees capability to mitigate consequences from large fires or explosions on site,
(2) assessing the licensees capability to mitigate station blackout (SBO) conditions,
(3) assessing the licensees capability to mitigate internal and external flooding events accounted for by the stations design, and
(4) assessing the thoroughness of the licensees walk downs and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. If necessary, a more specific follow-up inspection will be performed at a later date.

INSPECTION RESULTS

All of the potential issues and observations identified by this inspection are contained in this report. The NRCs Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report.

03.01 Assess the licensees capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats, committed to as part of NRC Security Order Section B.5.b issued February 25, 2002, and severe accident management guidelines and as required by Title 10 of the Code of Federal Regulations (10 CFR) 50.54(hh). Use Inspection Procedure (IP) 71111.05T, Fire Protection (Triennial), Section 02.03 and 03.03 as a guideline. If IP 71111.05T was recently performed at the facility the inspector should review the inspection results and findings to identify any other potential areas of inspection. Particular emphasis should be placed on strategies related to the spent fuel pool. The inspection should include, but not be limited to, an assessment of any licensee actions to:

Licensee Action Describe what the licensee did to test or inspect equipment.

a. Verify through test or inspection Licensee actions included the identification of equipment (active and passive) utilized for that equipment is available and implementation of B.5.b actions and any additional equipment used in Severe Accident functional. Active equipment Guidelines (SAGs). The scope of the equipment was defined as that equipment specifically shall be tested and passive designated for B.5.b or SAG mitigation (i.e., special hoses, fittings, diesel battery charger, equipment shall be walked down etc.). All active equipment was functionally tested. Fire pumps in place for B.5.b response and inspected. It is not were tested with a functional water flow test. Permanent plant equipment (i.e., in situ expected that permanently equipment) was not considered in the scope, since it is normally in service, subjected to installed equipment that is planned maintenance, and/or checked on operator rounds. The licensee identified tested under an existing surveillances/tests and performance frequencies for the in situ equipment determined under regulatory testing program be this item, and reviewed the results of recent tests. Passive equipment within the scope was retested.

walked down and inspected.

Describe inspector actions taken to confirm equipment readiness (e.g., observed a This review should be done for a test, reviewed test results, discussed actions, reviewed records, etc.).

reasonable sample of mitigating strategies/equipment.

The licensees actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensees capabilities by conducting a review of the licensees walkdown activities. In addition, the inspectors independently walked down and inspected all major B.5.b contingency response equipment staged throughout the site.

The results of the inspectors independent walkdowns agreed with the results obtained by the licensee.

Discuss general results including corrective actions by licensee.

All equipment (active and passive) designated to support B.5.b procedure requirements was verified by the licensee to be available and properly located. All passive equipment was walked down and verified to be in place and ready for use. Passive equipment which had surveillance and/or preventative maintenance tasks had those activities performed to verify readiness for use.

All active equipment located at the site was verified in place by the licensee. The licensee retested all active equipment; flow testing was performed on designated B.5.b transportable fire pumps.

Describe the licensees actions to verify that procedures are in place and can be Licensee Action executed (e.g. walkdowns, demonstrations, tests, etc.)

b. Verify through walkdowns or Licensee actions included the identification of those procedures utilized to mitigate the demonstration that procedures consequences of a B.5.b-related event and severe accidents. The licensee then compiled to implement the strategies verification documentation for procedure validations and identified any procedures not associated with B.5.b and issued or validated and any with open change requests. Open change requests were 10 CFR 50.54(hh) are in place reviewed for potential impacts on procedure functionality. Walkdowns were performed on and are executable. Licensees all identified procedures that utilize non-plant equipment or that specify lifted leads or may choose not to connect or jumpers for permanent plant equipment.

operate permanently installed Describe inspector actions and the sample strategies reviewed. Assess whether equipment during this procedures were in place and could be used as intended.

verification.

The licensees actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensees capabilities by conducting a review of This review should be done for a the licensees walkdown activities. In addition, the inspectors selected a sample of the reasonable sample of mitigating procedures walked down by the licensee and walked those down independently to verify the strategies/equipment.

licensees conclusions. The procedures walked down by the inspectors showed no discrepancies which had not been previously identified by the licensee and entered into the corrective action program (CAP).

Discuss general results including corrective actions by licensee.

The licensee reviewed the site SAG strategies and did not identify any issues. Procedures used for B.5.b were reviewed by the licensee and walkdowns were performed by operators to ensure actions taken in the field in response to a B.5.b event could be performed. Open procedure change requests were reviewed by the licensee to verify that there were no immediate procedure changes required. Two changes were identified by the licensee as having potential impact on operator response to a situation because the changes correct erroneous equipment locations identified in the procedures. The licensee upgraded the priority of these two change requests. Some minor enhancements were identified by the licensee and entered into the CAP. Specific condition reports (CRs) are listed in section 03.01(e) below.

Describe the licensees actions and conclusions regarding training and qualifications Licensee Action of operators and support staff.

c. Verify the training and Licensee actions included the identification of training/qualification requirements for qualifications of operators and operators for the implementation of actions needed to mitigate a B.5.b-related event, and for the support staff needed to the implementation of actions needed for SAG processes. The licensee documented that implement the procedures and operator training requirements were current.

work instructions are current for activities related to Security In addition, the licensee identified the training/qualification requirements for applicable Order Section B.5.b and severe emergency response organization (ERO) command and support staff, including security accident management personnel, for the implementation of actions needed to mitigate a B.5.b-related event and guidelines as required by SAG processes. The licensee also verified that ERO command and support staff training 10 CFR 50.54 (hh).

requirements were current.

Describe inspector actions and the sample strategies reviewed to assess training and qualifications of operators and support staff The licensees actions as discussed above were completed prior to the issuance of NRC TI 2515/183. The inspectors assessed the licensees training and qualification activities by conducting a review of training and qualification materials and records related to B.5.b and SAG event response.

Discuss general results including corrective actions by licensee.

The training requirements, qualifications, and associated records needed for operators for the implementation of SAGs and B.5.b event response were reviewed by the licensee.

Training was identified for shift managers, shift engineers, unit supervisors, reactor operators and non-licensed operators. The licensee verified that training requirements were embedded within the position qualifications for operators. The licensee confirmed that all shift operators verify their qualifications prior to assuming a shift position. The training requirements, qualifications, and associated records needed for ERO command and support staff for the implementation of actions needed to mitigate a B.5.b event or implement the SAGs were also reviewed. All ERO command and support staff training requirements were verified as current by the licensee.

Describe the licensees actions and conclusions regarding applicable agreements Licensee Action and contracts are in place.

d. Verify that any applicable Licensee actions included the identification of all applicable contracts and agreements agreements and contracts are in committed to be in place for the mitigation of a B.5.b-related event. The licensee verified place and are capable of that the contracts and agreements were current and documented whether or not the meeting the conditions needed contracts/agreements were capable of meeting the mitigation strategy.

to mitigate the consequences of For a sample of mitigating strategies involving contracts or agreements with offsite these events.

entities, describe inspector actions to confirm agreements and contracts are in place and current (e.g., confirm that offsite fire assistance agreement is in place and This review should be done for a current).

reasonable sample of mitigating The licensees actions as discussed above were completed prior to the issuance of NRC strategies/equipment.

TI 2515/183. The inspectors assessed the licensees capabilities by conducting an independent review of the licensees emergency response agreement with local counties and the standing mutual aid scheme in Ohio, Mutual Aid Box Alarm System, and the State of Ohio Emergency Response Plan. The licensee also maintains several emergency response agreements including with surrounding counties and fire agencies which support mitigation of events at the site. These agreements were verified to be current.

Discuss general results including corrective actions by licensee.

Licensee review of Letters of Agreement and Grant Agreements were found to be current and in place to support mitigation of security threats and mitigation strategies for other on-site events.

Document the corrective action report number and briefly summarize problems noted Licensee Action by the licensee that have significant potential to prevent the success of any existing mitigating strategy.

e. Review any open corrective The following entries into the licensees CAP were made in response to issues identified in action documents to assess Section 03.01:

problems with mitigating strategy implementation CR 11-91320 ONI-ZZZ-7 Spare vs. Future Breaker identified by the licensee.

CR 11-91328 EOP-SPI-1.8 ABI Hose Casing Damaged Assess the impact of the CR 11-91401 B5b Air Compressor Start Procedure problem on the mitigating CR 11-91481 ONI-SPI-D10 Equipment Lists Wrong Size Socket capability and the remaining CR 11-91482 FPI-A-T03 Champion Fire Pump Procedure Enhancements capability that is not impacted.

CR 11-91492 ONI-SPI-D10 Items Not Inventoried by a PM CR 11-91495 ONI-ZZZ-7 Procedure Enhancements; Jumper Cable Staging CR 11-91583 ONI-SPI-A7 Enhancement for Locations at Remote S/D Panel CR 11-91638 Foam Trailers Not on a PM CR 11-91714 MARCS Radio Not Answered During Test w/ Dispatch The inspectors reviewed each CR for potential impact to the licensees mitigation strategies.

No significant impacts were identified.

03.02 Assess the licensees capability to mitigate station blackout (SBO) conditions, as required by 10 CFR 50.63, Loss of All Alternating Current Power, and station design, is functional and valid. Refer to TI 2515/120, Inspection of Implementation of Station Blackout Rule Multi-Plant Action Item A-22 as a guideline. It is not intended that TI 2515/120 be completely reinspected. The inspection should include, but not be limited to, an assessment of any licensee actions to:

Describe the licensees actions to verify the adequacy of equipment needed to Licensee Action mitigate an SBO event.

a. Verify through walkdowns and Licensee actions included the identification of equipment utilized/required for mitigation of inspection that all required an SBO. The licensee then conducted walkdowns of this equipment to ensure they were materials are adequate and adequate and properly staged. Additionally, the licensee also conducted a review of open properly staged, tested, and CAP items for potential SBO equipment impact.

maintained.

Describe inspector actions to verify equipment is available and useable.

The inspectors assessed the licensees capability to mitigate SBO conditions by conducting a review of the licensees walkdown activities. In addition, the inspectors selected a sample of equipment utilized/required for mitigation of an SBO and conducted independent walkdowns of that equipment to verify that the equipment was properly aligned and staged.

The sample of equipment selected by the inspectors included those necessary to complete actions required by the following procedures: Off- Normal Instruction (ONI) R-10 Loss of AC Power; ONI-Special Plant Instruction (SPI) A-7, RCIC Emergency Operation; and ONI-SPI D-10, Hydrogen Igniter Emergency Operation.

Discuss general results including corrective actions by licensee.

The licensee determined that procedures for response to an SBO which are implemented through ONI R-10, Loss of AC Power, were adequate and materials were properly staged to support actions required by procedures. Minor discrepancies with required tools lists (all tools required were present but lists were deficient) and enhancements to procedures were identified and documented in the CAP for the licensee as follows:

CR 11-92018 ONI-SPI-A6, B6 Needs an Additional Tool - Adjustable Wrench CR 11-92207 Not All Items Used in ONI-SPI-A6, B6 on PM Inventory CR 11-91755 Div 3 DG Overspeed Reset Posted Aid Not as Detailed as Attachment CR 11-91756 Labels on ED1C Degraded CR 11-91964 LPCS Flush Connection Not Labeled Licensee Action Describe the licensees actions to verify the capability to mitigate an SBO event.

b. Demonstrate through Licensee actions included the identification of procedures required for response to an SBO, walkdowns that procedures for along with verification that the identified procedures were current and that no critical revision response to an SBO are requests were in place. The licensee then verified that the mitigating procedures had been executable.

properly validated. Additionally, the licensee also conducted a review of open CAP items for potential impact to SBO procedures.

Describe inspector actions to assess whether procedures were in place and could be used as intended.

The inspectors assessed the licensees capabilities by conducting a review of the licensees walkdown activities. In addition, the inspectors selected a sample of the procedures walked down by the licensee and walked those down to independently verify the licensees conclusions. The procedures reviewed by the inspectors included: ONI R-10 Loss of AC Power; ONI- SPI A-7, RCIC Emergency Operation; and ONI-SPI D-10, Hydrogen Igniter Emergency Operation.

Discuss general results including corrective actions by licensee.

The licensee procedure utilized to respond to an SBO is ONI R-10, Loss of AC Power.

Additionally a combination of ONIs and Emergency Operating Procedures, were identified for walkdowns. All procedures were found to be executable as written. Several enhancements were identified and captured in the CAP as follows:

CR 11-92499 Procedure Enhancements Identified for Increased Priority CR 11-91740 ONI-SPI-B4 Component Location Not Correct CR 11-91741 ONI-SPI-F5 Component Location Not Correct CR 11-91844 ONI-SPI-H1, H2 Enhancements CR 11-91856 ONI-SPI-C3 Human Performance Improvements 03.03 Assess the licensees capability to mitigate internal and external flooding events required by station design. Refer to IP 71111.01, Adverse Weather Protection, Section 02.04, Evaluate Readiness to Cope with External Flooding as a guideline. The inspection should include, but not be limited to, an assessment of any licensee actions to verify through walkdowns and inspections that all required materials and equipment are adequate and properly staged. These walkdowns and inspections shall include verification that accessible doors, barriers, and penetration seals are functional.

Describe the licensees actions to verify the capability to mitigate existing design Licensee Action basis flooding events.

a. Verify through walkdowns and Licensee actions included the identification of equipment and penetration seals inspection that all required utilized/required for mitigation of internal and external flooding. The licensee then materials are adequate and conducted walkdowns of this equipment to ensure it was adequate and properly staged.

properly staged, tested, and The primary equipment credited for flood mitigation in Perry design analyses are room and maintained.

sump level detectors and sump pump running alarms (level switches or transmitters that actuate control room annunciation windows to alert the operators). Credited equipment drains were walked down and determined to be functional. Doors, barriers, and penetration seals that are utilized for mitigation of flooding were identified and checked to see if they were routinely inspected to ensure functionality. Where routine inspections were not performed or could not be relied upon to ensure functionality, the licensee performed walkdowns and inspections to ensure that the components were functional.

Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.

The inspectors assessed the licensees capabilities to mitigate flooding by conducting a review of the licensees walkdown activities. In addition, the inspectors conducted independent walkdowns of selected flood mitigation equipment to review the overall assessment of the licensees flood mitigating capabilities. Licensee flood mitigation procedures were reviewed to verify usability. An external plant walkdown was conducted to review site external flood potential and licensee mitigation strategies. The inspectors' reviews were consistent with the licensee conclusions of functionality.

Discuss general results including corrective actions by licensee.

The licensee determined that, with a couple of minor deficiencies, all doors barriers and penetration seals relied on for internal flooding control and mitigation of external flooding events are tested on a periodic basis which supports the functionality of the equipment.

Deficiencies noted were captured in the CAP as follows:

CR 11-92019 Turbine Building to Heater Bay Wall Penetration Blocked CR 11-92037 Potential Flooding Concern HB 620 CR 11-92215 Degraded Intermediate Building Floor Penetrations CR 11-92301 Flooding Vulnerability for Items Stored At and Near the Swale CR 11-92425 Vulnerability for Flood Barriers at Safety Electrical Manholes CR 11-92555 Penetration Seals Not Inspected Due to Location or Rad Levels 03.04 Assess the thoroughness of the licensees walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. Assess the licensees development of any new mitigating strategies for identified vulnerabilities (e.g., entered it in to the CAP and any immediate actions taken). At a minimum, the licensee should have performed walkdowns and inspections of important equipment (permanent and temporary) such as storage tanks, plant water intake structures, and fire and flood response equipment; and developed mitigating strategies to cope with the loss of that important function. Use IP 71111.21, Component Design Basis Inspection, Appendix 3, Component Walkdown Considerations, as a guideline to assess the thoroughness of the licensees walkdowns and inspections.

Describe the licensees actions to assess the potential impact of seismic events on Licensee Action the availability of equipment used in fire and flooding mitigation strategies.

a. Verify through walkdowns that Licensee actions included the identification of equipment utilized/required for mitigation of all required materials are fire and flood events. Seismic vulnerabilities, including storage locations, were identified, adequate and properly staged, along with mitigating strategies for equipment that was not seismically qualified. The tested, and maintained.

licensee identified that portions of fire suppression system piping which provide fire protection to nuclear plant support systems is seismically qualified and can be supplied from the seismically qualified backup system, which is Emergency Service Water, through various points of interconnection.

Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.

The inspectors conducted independent walkdowns of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during a seismic event. This equipment included, but was not limited to: major B.5.b contingency response equipment staged throughout the site; installed fire protection and suppression equipment in the Intermediate Building and Control Complex; and installed diesel and electric fire pumps and their controls.

Licensee flood and fire mitigation procedures were reviewed to verify usability. The results of the inspectors reviews were consistent with the licensees conclusions that there were a number of seismic vulnerabilities that potentially need to be addressed.

Discuss general results including corrective actions by the licensee. Briefly summarize any new mitigating strategies identified by the licensee as a result of their reviews.

Seismically qualified is defined as the safety-related structure, system and component (SSCs) that have been formally qualified to function during and after a design basis earthquake, as applicable. The licensees reviews for this issue determined that non-safety related SSCs, in general, were not considered to be either seismically qualified or seismically rugged due to a wide variety of issues. The majority of room flood mitigation sump pumps and flooding detectors were not designed as seismically qualified and have not been evaluated as being seismically rugged. Similarly, the vast majority of the fire protection system, including both installed fire pumps, was not designed as seismically qualified and cannot be considered seismically rugged. Firefighting equipment staged to respond to B.5.b events was not stowed in seismically qualified buildings and locations, as a seismic event and B.5.b event have never been assumed to occur coincidentally.

The licensees reviews identified instances where response capability could be enhanced.

These included developing additional mitigation strategies, reviewing the locations of portable equipment, and reviewing the need for supplemental portable equipment to compensate for the possible loss of the fire water headers, the fire pumps, and much of the fire suppression system piping.

Further, reviews by the licensee identified that, in the event of a postulated earthquake, equipment may not function properly due to loss of essential power or being subjected to physical displacement. An existing mitigation strategy of conducting station surveys per the emergency plan and manning the emergency response organization following a seismic event was considered presently sufficient by the licensee. Further mitigation strategies, the licensee determined, will entail following industry recommendations from other plants that have identified similar beyond-design-bases vulnerabilities. The licensee entered the following minor issues into their CAP:

CR 11-92349 Scaffold Lay Down Area in IB Around Fire Protection Piping CR 11-92350 Three Scaffold Builds are Around Fire Piping CR 11-92352 Two Fire Protection Valves Noted to Have Packing Gland Leaks CR 11-92355 Fire Protection Piping Leaks Were Noted CR 11-92464 Some Equipment Racks in the SB-620' Brigade Station May Topple in Seismic Event. Should Be Fastened to Wall.

CR 11-92349 Two Fire Protection Isolation Valves Were Noted to Have Packing Leaks.

CR 11-92350 Three Scaffold Builds Were Noted to Be Built Around / Near Fire Protection Piping.

CR 11-92410 Some Minor Deficiencies Noted on ESW Pump House Fire Piping.

CR 11-92365 Scaffold Lay Down Area in CC in Close Proximity to Fire Protection Piping.

CR 11-92366 Scaffold Storage Area on 574 Elevation of Control Complex in Close Proximity to Fire Protection Piping and Associated Hose Reel.

CR 11-92557 Components Inaccessible for Walkdown.

Meetings Exit Meeting The inspectors presented the inspection results to Mr. Mark Bezilla and other members of licensee management on May 6, 2011. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was identified.

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee

M. Bezilla, Site Vice President
K. Krueger, Plant General Manager
J. Grabnar, Site Engineering Director
H. Hanson, Performance Improvement Director
T. Jardine, Operations Manager
L. Lindros, Site Security Manager
M. Stevens, Maintenance Director

Enclosure

LIST OF DOCUMENTS REVIEWED